Federal Communications Commission fcc 14-154


A.Frequency Bands Above 24 GHz for Mobile Services



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A.Frequency Bands Above 24 GHz for Mobile Services


XLIX. Since most of the candidate bands above 24 GHz are already shared and, most likely, will continue to be shared by other services, it is important to determine whether or not those services are compatible with advanced mobile service in the mmW bands. Similarly, in selecting the most suitable bands above 24 GHz for mobile services, we must determine whether advanced mobile operations in a given band are consistent with our country’s goals of encouraging highly efficient use of spectrum, as well as promoting innovation, investment, and America’s global competitiveness.18 The following discussion seeks comment on various aspects of the band selection issues we have introduced in this paragraph.

L.In the context of which bands above 24 GHz are most suitable for advanced mobile services, we seek comment on the extent to which we should consider international allocations and service rules in other countries in order to foster global harmonization. Various international organizations and standards bodies, including 3GPP, 5GNOW, and METIS have launched 5G-oriented research and development programs.19 These organizations are made up of various different vendors, operators, and academic organizations.20 We recognize that these entities will play a significant role in determining the technical requirements and standards for 5G systems and technologies, including the use of mmW bands for mobile wireless services. A common goal cited by these organizations is to build consensus and contribute to standardization of future mobile and wireless communications.21 Several entities have projects that will be ongoing at least through the spring of 2015, including the METIS 2020 project,22 and the 5GNOW project.23 We anticipate that the activities of these organizations, and others, will help to inform this proceeding, so we invite parties that are involved in or familiar with these ongoing activities to comment on the global technical and regulatory requirements that are being considered and/or proposed in these bands for 5G services.

LI.We note that most of the bands that we explore in the context of this Notice of Inquiry are allocated internationally for fixed and mobile services.24 We recognize that in a global economy there will often be a need for single devices to operate seamlessly throughout more than one, or perhaps even throughout many different countries. Further, global harmonization of regulatory and technical requirements will promote global economies of scale in equipment manufacturing. To that end, how essential is global harmonization of technical and regulatory requirements to the success of advanced mobile services? What are the economic benefits of global harmonization within the bands above 24 GHz for these services? Do certain bands suit these services better because of existing global allocations and/or regulatory frameworks in various countries?

LII.We also note that research and development efforts underway for 5G envision devices that will use adaptive software-defined air interfaces and software-defined networking techniques. These types of interfaces may provide intelligence and flexibility that can enable handsets and user equipment to operate seamlessly across different networks, different technologies, and different frequency bands. 25 What effect would the use of such technology have on the suitability of certain bands for mobile mmW services? Would the use of such technology reduce the need for large blocks of contiguous spectrum? Would the use of such technology allow for different network architectures that would enable devices to work seamlessly across different frequency bands? What effect would the capability of operating across different frequency bands have on the appropriate regulatory licensing framework?

LIII.In the discussion below, we invite comment on the suitability of the Local Multipoint Distribution Service (LMDS) bands, the 39 GHz band, the 37/42 GHz bands, the 60 GHz band, the 70/80 GHz bands, and the 24 GHz band for advanced mobile services. We also invite comment on any other bands above 24 GHz that are not included in this list but might be appropriate. We seek comment and discussion on bands above 95 GHz that commenters believe would be suitable candidates for mobile services. As with other bands, we encourage commenters to explain the characteristics that enable mobile services, the nature and extent of incumbent services, and steps that can be taken to ensure incumbent uses are protected.26 Our intent is to examine any mmW bands that could be suitable for advanced mobile services, whether or not the band is part of a global and organized standards effort for 5G. The following is a brief summary of the most salient characteristics of the relevant bands.

1.LMDS Band (27.5-28.35 GHz, 29.1-29.25 GHz, and 31-31.3 GHz)


LIV.Bandwidth: 1,300 megahertz. In 1997, the Commission allotted 1,300 megahertz of LMDS spectrum in each basic trading area (BTA) across the United States.27 Specifically, the Commission allocated two LMDS licenses per BTA – an “A Block” and a “B Block” in each.28 The A Block license is comprised of 1,150 megahertz of total bandwidth, and the B Block license is comprised of 150 megahertz of total bandwidth.29 The A Block consists of the sub bands 27.50-28.35 GHz (the A1 Band); 29.10-29.25 GHz (the A2 Band); and 31.075-31.225 GHz (the A3 Band).30 The B Block consists of the sub bands 31.00-31.075 (the B1 Band) and 31.225-31.30 GHz (the B2 Band).31

LV.Licensing Status: Of the 986 designated license areas (493 BTAs times two licenses per BTA), 416 areas have active licenses, which cover about 75 percent of the U.S. population.

LVI.Status of Mobile Allocation and Rights: LMDS occupies portions of two spectrum bands that the Commission has allocated on a co-primary basis for Fixed and Mobile services, as reflected in the U.S. Table of Frequency Allocations.32 While the Commission has not, to date, authorized any specific service (including LMDS) to provide mobile service in those bands, it did express an expectation that it would expand the LMDS authorization for Fixed service to include Mobile service if proposed and supported by the resulting record. In the LMDS Second Report & Order, the Commission stated:

To ensure the flexibility in LMDS service offerings that commenters seek and we proposed, we will permit any fixed terrestrial uses that can be provided within the technical parameters for LMDS. We conclude that, for now, our significant allocation of spectrum under such a broad and flexible service definition should permit licensees to satisfy a broad array of their customers' communications needs, whether through one or multiple service offerings. Although LMDS is allocated as a fixed service, we know of no reason why we would not allow mobile operations if they are proposed and we obtain a record in support of such an allocation. We believe this would be consistent with our goal of providing LMDS licensees with maximum flexibility in designing their systems. We have authorized other wireless services to include mobile and fixed services, depending on whether developments in the service and related equipment demonstrate a need for changing the rules and a capability for mobile and fixed services to coexist in these bands.33

LVII.Other Authorized Services: There are no primary federal allocations in the LMDS band. For the 27.5-28.35 GHz band segment, the U.S. Table of Frequency Allocations includes a co-primary Fixed-Satellite Service (FSS) Earth-to-space allocation,34 but Section 25.202 of the Commission’s rules provides that the FSS is secondary to LMDS in that band.35 Twenty stations are licensed for Earth-to-space transmissions on a secondary basis in the 27.5-28.35 GHz band.36 For the 29.1-29.25 GHz band segment, Section 25.202 of the Commission’s rules provides that 29.1-29.25 GHz is co-primary for Mobile-Satellite Service (MSS) feeder links and LMDS,37 and Section 101.1001 of the Commission’s rules limits LMDS to hub-to-subscriber transmissions in this band segment.38 Section 25.257 of the Commission’s rules allows as many as ten MSS feeder link earth station complexes to be deployed in the 29.1-29.25 GHz band segment,39 but there are currently only five active licenses for feeder link and telemetry, tracking, and command earth stations in those frequencies.40 The 31-31.3 GHz band segment has co-primary allocations for terrestrial Fixed and Mobile services, with a secondary federal and non-federal allocation for space-to-Earth standard frequency and time signal operations.41

LVIII.We seek comment on the suitability of the LMDS band for advanced mobile services of the kind discussed above. With respect to the 27.5-28.35 GHz band, we note that satellite operations are secondary to LMDS, but there appears to be considerable satellite use of that band. Does the 29.1-29.25 GHz band contain sufficient spectrum to make it useful for advanced mobile services, and is there any way to authorize mobile use while protecting co-primary MSS feeder links? With respect to the 31-31.3 GHz band, we ask commenters whether that band contains sufficient spectrum to be useful for advanced mobile services. LMDS operators are presently required to follow Part 101 Fixed Service rules to coordinate frequency use with LMDS operators in adjacent license areas, but the last time the Commission addressed the issue of using, as an alternative mechanism of preventing co-channel interference, power flux density (PFD) or other limits at boundaries between geographic service areas (GSAs), it did not have a sufficient record to develop such limits.42 In general, we have found it necessary to establish such specified limits whenever we have authorized the provision of mobile services by licensees holding exclusive service rights for GSAs.43 We invite comments on PFD limits and any additional requirements that might be necessary to prevent harmful interference between adjacent LMDS operators if we authorize them to begin providing mobile services. In addition, commenters are requested to address any adjacent band protection requirements related to federal FSS and MSS (Earth-to-space) in the 30-31 GHz band if the 31-31.3 GHz band is proposed to be suitable for advanced mobile services.


1.39 GHz Band (38.6-40 GHz)


LIX.Bandwidth and Channelization: 1,400 megahertz. The band is licensed by Economic Area (EAs) (there are 176 EAs).44 There are fourteen paired blocks of 50 by 50 megahertz channels.45 In addition, there are currently 229 active Rectangular Service Area (RSA) licenses that predate the creation of the EA licenses and where the licensees self-defined their service area. Those RSA licensees retain the exclusive right to operate within their RSAs.46

LX.Licensing Status: Out of 2,464 possible EA licenses (14 channel pairs for each of 176 EAs), 859 are currently licensed. Other licenses were voluntarily cancelled or terminated for failure to meet substantial service requirements.47 The populations in licensed areas (both EA and RSA licenses) vary by channel, but in aggregate they cover about 49 percent of the U.S. population.

LXI.Status of Mobile Allocation and Rights: This band has a co-primary allocation for fixed and mobile services.48 The Commission provided licensees the flexibility to provide mobile services and stated the belief that “the issue of technical compatibility of fixed and mobile operations within a service area is one that can and should be resolved by the licensee.”49 The Commission declined to permit mobile operations, however, until it conducted a separate proceeding to resolve inter-licensee and inter-service interference issues.50

LXII.Other Authorized Services: There are no Federal allocations in the 38.6-39.5 GHz band.51 There is a Federal allocation for FSS (space-to-Earth) and MSS (space-to-Earth) in the 39.5-40 GHz band. Federal government earth stations in the MSS in the 39.5-40 GHz band are prohibited from claiming protection from non-Federal stations in the fixed and mobile services in this band, but are not required to protect non-federal fixed and mobile services in the band (i.e., 5.43A of the ITU Radio regulations does not apply).52 This prohibition does not apply to Federal government earth stations in the FSS. When the 39 GHz Order was adopted, Federal government use of the band was limited to military systems in the 39.5-40 GHz band segment, but the Department of Defense stated that it had plans to implement satellite downlinks at 39.5-40 GHz in the future, and the National Aeronautics and Space Administration (NASA) identified 39.5-40 GHz as a possible space research band to accommodate future Earth-to-space wideband data requirements.53 The 39 GHz Report and Order expressed optimism that such plans would not affect the continued development of the 39 GHz band for non-Government use, but the Commission said that it intended to address those interference issues in a future, separate proceeding that would focus on developing inter-licensee and inter-service standards and criteria.54 At present, the U.S. Table of Frequency Allocations provides that Federal satellite services in the 39.5-40 GHz band are limited to military systems.55

LXIII.Non-Federal government FSS (space-to-Earth) is co-primary throughout the entire 39 GHz band,56 but, under a “soft segmentation” band plan adopted by the Commission in 2003, FSS is subject to lower power flux density limits in the 37.5-40 GHz band to accommodate high-density fixed terrestrial systems.57 Hughes Network Systems, LLC holds the only non-Federal FSS authorization to provide space-to-Earth transmissions in this band (at 39-40 GHz); the IBFS database shows no pending applications.58

LXIV.We seek comment on the suitability of the 39 GHz band for advanced mobile services. As noted above, the Commission assumed that geographic area licensees would be in the best position to coordinate fixed and mobile uses in that band. Is that assumption still accurate, or are additional procedures or rules necessary? Also, in the 39 GHz Order, the Commission required that 39 GHz operators follow Part 101 Fixed Service rules to coordinate frequency use with operators in adjacent license areas, but it did not establish power-flux-density limits or other rules to govern interference between geographically adjacent licensees.59 As mentioned above, we generally find it necessary to establish such specified limits whenever we authorize the provision of mobile services by licensees holding exclusive GSA service rights.60 We invite comments on the need for such a requirement to accommodate the provision of advanced mobile services in the 39 GHz band. With respect to the FSS, do the existing limitations on satellite power flux density make such operations compatible with mobile operations? What other technology characteristics should be taken into account to assess compatibility between potential commercial mobile broadband service with existing incumbent operations including federal MSS and FSS? Are there any additional measures needed in terms of OOBE limits that are needed to protect federal MSS and FSS downlink operations in the adjacent 40-40.5 GHz band? We also seek comment on whether any limitations or special rules on mobile use would be necessary in order to protect Federal military FSS use of the 39.5-40 GHz band.


1.37/42 GHz Bands (37.0-38.6 GHz and 42.0-42.5 GHz)


LXV.Bandwidth and Channelization: 1600 and 500 megahertz, respectively. Because there are currently no terrestrial service rules in place for these bands, there is no channelization plan for the allocated terrestrial services.

LXVI.Licensing Status: In 2004, the Commission sought comment on establishing fixed and point-to-point multipoint service rules in the 37 GHz and 42 GHz bands, as well as allowing “mobile use in the future, if and when the technology develops.”61 In early 2005, commenters, including First Avenue Networks, Inc., Winstar Communications, LLC, and the Fixed Wireless Communications Coalition (FWCC), believed that it was not in the public interest to license the 37 GHz and 42 GHz bands at that time because the supply of millimeter wave spectrum exceeded the demand for such spectrum.62 The Commission has not issued final rules in response to the 37/42 GHz NPRM.

LXVII.On May 9, 2012, FWCC filed a petition for rulemaking seeking the establishment of service rules for fixed point-to-point use of the 42-43.5 GHz band under Part 101 of the Commission’s rules.63 The Commission continues its evaluation of FWCC’s petition for rulemaking. Accordingly, there are no service rules or licenses for terrestrial operation in these bands.

LXVIII.Status of Mobile Allocation and Rights: There are co-primary allocations for terrestrial mobile service in these bands, but the Commission has not yet adopted service rules to authorize such services.64 All operations in the 42-42.5 GHz band are urged to take all practicable steps to protect radio astronomy observations in the 42.5-43.5 GHz band from interference.65

LXIX.Other Authorized Services: In 2004, NTIA sent a letter to the Commission identifying the following NASA receiving earth stations in the space research service in the band 37-38 GHz band: Goldstone, California; Guam, Pacific Ocean; Merritt Island, Florida; Wallops Island, Virginia; and White Sands, New Mexico.66 NTIA also identified Green Bank, Virginia; and Socorro, New Mexico NSF sites to support their Very Long Baseline Interferometry (VLBI) earth station operations. NTIA noted the importance of the band 37-38 GHz to support U. S. goals to provide a permanent manned presence in Earth orbit (on or near the moon) and to initiate manned exploration of the planet Mars, and to support VLBI by satellite. There is also an allocation for federal space research, fixed, and mobile service operations in the band 37-38.6 GHz. NTIA identified 14 military sites in the band 37-38.6 GHz that required protection. NTIA recommended that coordination with the federal operations be performed within the Interdepartment Radio Advisory Committee (IRAC) process. In 2006, NTIA sent a follow-up letter to the FCC reaffirming the need to protect NASA, NSF, and military operations from non-federal terrestrial and fixed-satellite service operations in the band 37-38 GHz.67 NTIA requested that the protection of federal operations be accomplished by establishing a U.S. footnote to the table of frequency allocations specifying the federal sites and the coordination areas. NTIA also recommended that because of the potential interference from airborne systems, the aeronautical mobile service allocation should be deleted from the band 37-38 GHz.

LXX.In addition to Fixed and Mobile allocations, there is a co-primary FSS (space-to-Earth) allocation for the 37.5-38.6 GHz band segment, and Broadcasting and Broadcasting-Satellite Service (BSS) allocations for the 42-42.5 GHz band segment.68 The Commission has proposed eliminating the BSS allocations in the 42-42.5 GHz band and adding a FSS (space-to-Earth) allocation in order to protect adjacent channel radio astronomy in the 42.5-43.5 GHz band.69 As described above, the soft segmentation plan adopted in the V-Band Second Report and Order favors terrestrial services in the 37.0-38.6 GHz band.70

LXXI.Termination of ET Docket No. 95-183 and PP Docket No. 93-253. We will terminate ET Docket No. 95-183 and PP Docket No. 93-253 – dockets in which the record has become stale – and resume consideration of potential uses of the 37 GHz and 42 GHz bands in this proceeding (GN Docket No. 14-177). Much has changed since 2005 when comments were filed in those proceedings. We believe it is appropriate to create a new record regarding the potential use of this band for both fixed and mobile services. We will work together with NTIA to ensure that federal operations are protected while maximizing the use of the 37-38.6 GHz band for commercial operations. In addition, it would be appropriate to give NTIA and other federal agencies an opportunity to refresh the record on federal deployments and plans in the 37-38.6 GHz band.

LXXII.We seek comment on the suitability of the 37 GHz and 42 GHz bands for advanced mobile services. Through the IRAC process, we will work with NTIA and the Federal agencies, to update the information on current and future Federal use of the 37 GHz band and establish sharing arrangements to promote the development of innovative commercial wireless services. Since we have not developed any terrestrial service rules for these bands, we seek comment on the appropriate licensing mechanism for those bands, as discussed below. With respect to the 42 GHz band, would authorizing mobile operations be consistent with protecting radio astronomy observations in the 42.5-43.5 GHz band? As an alternative, we seek comment on FWCC’s proposal to authorize fixed point-to-point use of the 42-43.5 GHz band. Would fixed point-to-point use be more consistent with other uses in that band?


1.60 GHz Bands (57-64 GHz and 64-71 GHz)


LXXIII.Bandwidth: 7 gigahertz and 7 gigahertz, respectively.

LXXIV.Licensing Status: There are no licensed operations in any of these bands. Unlicensed operation within the 57-64 GHz band is permitted under Part 15 of our rules.71 Non-Federal government operators of outdoor radio equipment in the 57-64 GHz band segment are not required to obtain individual licenses or seek coordination with NTIA if they limit average EIRP to 82 dBm minus 2 dB for every dB that their antenna gain is less than 51 dBi.72 Last year, the Commission expanded the use of Part 15 devices in the 57-64 GHz band in order to “help the Commission fulfill its objectives to bring broadband access to every American by providing additional competition in the broadband market, lowering costs for small business owners accessing broadband services, and supporting the deployment of 4th generation (4G) and other wireless services in densely populated areas.”73 Specifically, the Commission allowed longer communication distances for outdoor point-to-point systems in the 57-64 GHz band by allowing higher powers, specified emission limits as an EIRP power level to provide uniformity and consistency in the rules, and eliminated the requirement for certain devices in the 57-64 GHz band to transmit identification information.74 Frequencies from 64-71 GHz are not among those listed in our rules as available for licenses issued in the terrestrial Fixed Service75 or for any satellite services except for inter-satellite service.76 Our rules list 65-71 GHz as available for Inter-Satellite (ISS) licenses,77 but there are no current ISS licenses.78

LXXV.Status of Mobile Allocation and Rights: Each of the 60 GHz bands has co-primary mobile allocations.79 In the 64-66 GHz band, aeronautical mobile operation is prohibited.80 As noted above, the only operations in those bands are in the 57-64 GHz band pursuant to Part 15 of the rules.

LXXVI.Other Authorized Services: The 65-71 GHz band is authorized for ISS links.81 There are currently no active satellite licenses in that band. There is also a series of allocations for Federal and non-Federal Fixed, Radiolocation, Radionavigation-Satellite, Earth Exploration-Satellite, and ISS operations throughout these bands.82 International and domestic rules also indicate that any use of the 66-71 GHz band by the land mobile service is subject to not causing interference to, and accepting interference from, the space radiocommunication services in this band.83

LXXVII.We seek comment on the advisability of amending our rules to allow unlicensed Part 15 operations in the 64-71 GHz band segment. As an alternative, we seek comment on the possibility of authorizing licensed operations in that band. We request commenters to provide supporting information on existing or in development viable technology that would be envisioned for this band. We also seek comments on any interference that either licensed or unlicensed advanced mobile operations in the 65-71 GHz band segment could cause to any inter-satellite operations that might eventually develop in the 65-71 GHz band.

1.70/80 GHz Bands (71-76 GHz, 81-86 GHz)


LXXVIII.Bandwidth and Channelization: 5 gigahertz and 5 gigahertz, respectively. Currently, there is no channelization plan for these bands.

LXXIX.Licensing Status: As of June 6, 2014, there were 270 active non-exclusive nationwide licenses covering the 70 GHz, 80 GHz, and 90 GHz bands. Based upon information available from the third-party database managers who are responsible for registering links in those bands, as of June 6, 2014, there were approximately 10,240 registered fixed links in the 70 GHz band, and 8,620 registered fixed links in the 80 GHz band.84

LXXX.Status of Mobile Allocation and Rights: There are co-primary mobile allocations in all three bands, subject to the requirement that non-Federal operations may not cause harmful interference to, nor claim protection from, Federal Fixed Satellite Service operations located at 28 military bases.85 Operators in the 80 GHz bands must also avoid interfering with 18 radio astronomy observatories.86 There are no mobile service rules in place for these bands.

LXXXI.Other Authorized Services. In 2003, the Commission established service rules to promote non-Federal fixed development and use of spectrum in the 71-76 GHz, 8186 GHz, and 92-95 GHz bands.87 Based on its determination that systems in these bands can readily be engineered to produce highly directional, “pencil-beam” signals that can co-exist in the same vicinity without causing interference to one another, the Commission adopted a flexible and innovative regulatory framework for the bands.88 Specifically, the Report and Order permits the issuance of an unlimited number of non-exclusive, nationwide licenses to non-Federal Government entities for all of these bands. Under this licensing scheme, a license serves as a prerequisite for registering individual point-to-point links; licensees may operate a link only after the link is registered with a third-party database.89

LXXXII.As noted above, non-Federal operations in all of these bands must protect Federal FSS operations located at 28 military bases. In addition, in the 80 and 90 GHz bands, licensees who propose to register links located near 18 radio astronomy observatories must coordinate their proposed links with those observatories.90 Third-party database managers are responsible for recording each proposed non-Federal link in the third-party database link system and coordinating with NTIA’s automated “green light/yellow light” mechanism to determine the potential for harmful interference with Federal operations and radio observatories.91

LXXXIII.The 71-74 GHz band segment also has co-primary allocations for Federal and non-Federal Fixed, FSS, Mobile, and MSS (space-to-Earth) operations.92 The 74-76 GHz band segment has co-primary allocations for Federal and non-Federal government Fixed, FSS (space-to-Earth), Mobile, and Space Research Service operations.93 In addition, there are non-Federal allocations in that band segment for Broadcasting and BSS operations.94 The 81-86 GHz band has co-primary allocations for Federal and non-Federal government Fixed, FSS (Earth-to-space), and Mobile, and within that band the 81-84 GHz band segment also has a Federal and non-Federal government allocation for MSS (Earth-to-space).95

LXXXIV.We seek comment on whether mobile operations in the 70 GHz and 80 GHz bands could coexist with existing Federal and non-Federal fixed operations. Could elements of the licensing model that presently applies to the 70/80 GHz bands be adapted to facilitate coordination with advanced mobile service if it were to be authorized in those bands? Could the automated coordination and registration system that applies to fixed stations in this band be applied to advanced mobile service base stations, and, if so, would that adequately protect Federal government operations and other non-Federal government operators from interference from commercial base stations? Alternatively, we seek comment on the advisability of allowing unlicensed Part 15 operations in the 70/80 GHz band segments.

LXXXV.We also seek comment on what rules would be needed to authorize mobile subscriber units while avoiding harmful interference to other authorized operations. Could the potential for interference be limited if the mobile subscribers were required to refrain from transmitting except when operating under the control of a nearby base station? If such precautionary measures would not be sufficient by themselves, should we consider adopting a system of dynamic access control using databases similar to those used to control access to TV White Spaces, in this case to enforce exclusion zones around important Federal and radio astronomy sites? We invite commenters to evaluate the extent to which such measures could prevent non-Federal subscriber units from causing interference to Federal government operations or to other non-Government operators in the 70 GHz and 80 GHz bands.


1.24 GHz Bands (24.25-24.45 GHz and 25.05-25.25 GHz)


LXXXVI.Bandwidth and Channelization Plan: 400 megahertz, divided into paired 40 megahertz channels.96

LXXXVII.Licensing Status: There are two types of fixed licenses in this band. 24 GHz Service licenses have a total of 176 EA or EA-like service areas.97 In 2004, the Commission held Auction No. 56, in which it made 890 24 GHz licenses available. Only seven of the 890 licenses were sold.98 In addition, FiberTower Spectrum Holdings LLC and Puerto Rico Telephone Company hold a total of seven pre-auction Digital Electronic Messaging Service licenses in this band.

LXXXVIII.Status of Mobile Allocation and Rights: There is no mobile allocation in either of the 24 GHz band segments.99 In the 24 GHz Report & Order, the Commission found that it would be premature to allow mobile operations in the 24 GHz bands but reserved the discretion to revisit that issue if it is presented with technical information demonstrating that such operations would be technically feasible without generating interference to fixed operations and BSS feeder links in 24 GHz band segments.100

LXXXIX.Other Authorized Services. Neither the 24.25-24.45 GHz nor the 25.05-25.25 GHz band segment has any allocation for the Federal government.101 The 25.05-25.25 GHz band segment has co-primary allocations for non-Federal government Fixed Service and FSS (Earth-to-space) services, and a footnote to the U.S. Table of Frequency Allocations provides that the use of the 25.05-25.25 GHz band by the FSS (Earth-to-space) is limited to feeder links for the BSS.102 Section 25.203(l) of the Commission’s rules provides that applicants for feeder link earth station facilities operating in the 25.05-25.25 GHz band may be licensed only in EAs where no existing FS licensee has been authorized, and shall coordinate their operations with 24 GHz FS operations if the power flux density of their transmitted signal at the boundary of the FS license area is equal to or greater than −114 dBW/m2 in any 1 MHz.103 The 17/24 GHz Broadcasting-Satellite Service Report and Order determined that future FS systems locating near an authorized 17/24 GHz BSS feeder link earth station may not claim protection from interference from the feeder link earth station's transmissions, provided that those transmissions are compliant with the Commission’s rules, and that future 24 GHz FS applicants would be required to take into account the transmissions from the previously authorized earth station when considering system designs, including their choices of locations for their license areas.104 There are three active licenses for feeder link earth stations in the 25.05-25.25 GHz band segment, all of them held by DirecTV.105

XC.We seek comment on the advisability of adding a mobile allocation and developing advanced mobile service rules in the 24 GHz band. Is there sufficient spectrum available in the band to make it useful for this purpose? Is it possible to allow mobile operations while protecting Earth-to-space satellite services in the 25.05-25.25 GHz band segment? Should we establish exclusion zones around the 17/24 GHz BSS feeder links that operate in that band segment? In light of the small number of existing terrestrial licenses in this band, if we decide to authorize mobile service, should we adopt a new licensing framework for this band? What other technology characteristics should be taken into account to assess compatibility with and ensure protection of federal radar operations in the adjacent 24.05-24.25 GHz band?



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